Friends of the Green Bridge v. Dept. of Transportation CA1/1

CourtCalifornia Court of Appeal
DecidedSeptember 29, 2023
DocketA163405
StatusUnpublished

This text of Friends of the Green Bridge v. Dept. of Transportation CA1/1 (Friends of the Green Bridge v. Dept. of Transportation CA1/1) is published on Counsel Stack Legal Research, covering California Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Friends of the Green Bridge v. Dept. of Transportation CA1/1, (Cal. Ct. App. 2023).

Opinion

Filed 9/29/23 Friends of the Green Bridge v. Dept. of Transportation CA1/1 NOT TO BE PUBLISHED IN OFFICIAL REPORTS California Rules of Court, rule 8.1115(a), prohibits courts and parties from citing or relying on opinions not certified for publication or ordered published, except as specified by rule 8.1115(b). This opinion has not been certified for publication or ordered published for purposes of rule 8.1115.

IN THE COURT OF APPEAL OF THE STATE OF CALIFORNIA

FIRST APPELLATE DISTRICT

DIVISION ONE

FRIENDS OF THE GREEN BRIDGE, et al., A163405 Plaintiffs and Appellants, (Marin County Sup. Ct. v. No. CIV 1802702) CALIFORNIA DEPARTMENT OF TRANSPORTATION, Defendant and Respondent.

In this environmental dispute, Friends of the Green Bridge and Robert A. Johnson (collectively, Friends) challenge the final environmental impact report (FEIR) for the Lagunitas Creek Bridge Project in Marin County prepared by lead agency and respondent California Department of Transportation (Caltrans).1 Friends assert that the FEIR was deficient because it failed to consider the possibility of a retrofit among its range of reasonable alternatives. Friends further contend that Caltrans violated

1 Caltrans is the lead agency for the project under both the California

Environmental Quality Act (Pub. Resources Code, § 21000 et seq. (CEQA)) and the National Environmental Policy Act (42 U.S.C. § 4321 et seq. (NEPA)). All statutory references are to the Public Resources Code unless otherwise specified. We refer to CEQA’s implementing regulations (Cal. Code Regs., tit. 14, § 15000 et seq.) as “Guidelines” per common practice. .

1 CEQA by failing to recirculate the draft environmental impact report (DEIR) prior to certification given that the FEIR contained significant new information. The trial court thoroughly and thoughtfully considered and rejected both of these arguments. As we agree with the trial court’s analyses and conclusions, we affirm. I. FACTUAL AND PROCEDURAL BACKGROUND A. The Lagunitas Creek Bridge Project The Lagunitas Creek Bridge, locally called the Green Bridge, is located on State Route (SR) 1 in Marin County, just south of Point Reyes Station and north of the intersection with Sir Francis Drake Boulevard, approximately four-tenths of a mile east of the San Andreas fault. It serves as a vital connection between communities north and south of Point Reyes Station for residents, tourists, delivery trucks, emergency responders, transit providers, pedestrians, bicyclists, and equestrians. The bridge, which was built in 1929, is a three-span structure with a total length of 152 feet. It has two 26-foot reinforced concrete approach spans and a 100-foot riveted steel pony truss center span. Lagunitas Creek originates on Mount Tamalpais in Marin County and flows approximately 22 miles into Tomales Bay. The Lagunitas Creek watershed is the largest sub-watershed draining into Tomales Bay. Environmentally sensitive habitat areas existing within the project footprint include wetlands, waters, riparian vegetation, and uplands that support a number of special-status or rare species, including coho salmon and steelhead. The project was deemed necessary because the existing bridge does not meet current safety and seismic design standards. Indeed, deficiencies in the bridge would likely cause it to fail during a strong seismic event. Moreover,

2 the existing bridge and shoulders along SR 1 fail to provide continuous shared access for pedestrians, bicyclists, and equestrians. B. The Environmental Review Process After an inspection of the Lagunitas Creek bridge in 2008, Caltrans initially recommended certain measures to retrofit the bridge, such as filling the cracks on the deck to extend its life and strengthening the steel truss. However, by 2010, a life cycle cost analysis was completed for the bridge determining that it had, at most, a 20-year remaining life. Given this fact— along with the conclusion that any sort of seismic retrofit work would add additional dead load to the structure, which already had a low live load carrying capacity2—Caltrans concluded that retrofitting the bridge was not a viable option. A bridge inspection report in 2014 noted the bridge was “fracture critical” because it is a truss bridge with low redundancy.3 In March 2015, Caltrans submitted a Notice of Preparation to the California State Clearinghouse with respect to the bridge project. Public notice regarding the project was posted, published, and sent to numerous governmental agencies and members of the public. The notices indicated that the intent of the project is to ensure that the crossing of Lagunitas Creek on SR 1 in Point Reyes Station meets seismic safety standards and addresses the need for accommodating all users of the bridge. The proposed plan was to replace the current bridge with a new bridge in one of four feasible types

2 The structural elements supporting a bridge must be sufficient to

support not only the weight of the bridge itself (dead load) but also the temporary weight of the traffic crossing the bridge (live load). 3 Fracture critical components are “those steel members that are under

tension and the failure of which (through corrosion or cracking) could result in collapsing a portion of or the entire bridge.” When a bridge lacks redundancy, if any key connection is compromised, the bridge could fail during an earthquake or heavy traffic loads.

3 meeting current Caltrans standards. However, Caltrans invited the public to participate in the upcoming scoping process which would include a discussion of the “range of alternatives to be considered.” And the public was encouraged to “review preliminary design concepts” and provide comments, “particularly on the range of alternatives, resources, and impacts that should be considered” during the environmental review process. 1. Scoping Meetings At the initial public scoping meeting in March 2015, Caltrans reported that a structural assessment of the bridge disclosed that the steel portions of the bridge were deteriorating, reducing its design strength, and that the bridge did not meet current standards for earthquake resistance. Caltrans presented an overview of the proposed replacement project, along with various project alternatives. With respect to a possible retrofit of the existing bridge, Caltrans raised the following concerns: (1) retrofitting would require the addition of significant amounts of steel to strengthen the existing structure, decreasing the weight capacity of the bridge which was already less than the modern standard; (2) steel bridges are susceptible to fatigue which gives them a finite lifespan, making retrofitting not cost-effective at a certain point; and (3) since the depth and type of piles used for supporting the bridge was not documented, it was impossible to determine the ability of the current foundation to withstand seismic activity. In connection with this discussion, Caltrans presented images of the bridge which showed cracked concrete and corroded metal components. It also explained that keeping the current bridge design was problematic in that it did not meet modern bridge design standards with respect to lane width, shoulders, sidewalk width, and curb ramps for individuals with disabilities. Caltrans sought public involvement in the project, requesting, among other things, suggestions for

4 new viable alternatives and ways in which the existing alternatives could be improved. The comment period for the scoping process was extended from April 17 to June 20, 2015, and resulted in 78 comments. Responders included regulatory agencies, businesses, private organizations, nonprofit groups, and members of the public.

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Friends of the Green Bridge v. Dept. of Transportation CA1/1, Counsel Stack Legal Research, https://law.counselstack.com/opinion/friends-of-the-green-bridge-v-dept-of-transportation-ca11-calctapp-2023.